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IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF VIRGINIA Alexandria Division THE NATIONAL ORGANIZATION FOR MARRIAGE, INC. ) ) ) Plaintiff, ) ) v. ) ) THE UNITED STATES OF AMERICA, ) ) Defendant. ) __________________________________________)
Plaintiff National Organization for Marriages Objections to Defendant United States of Americas Exhibit List Pursuant to this Courts December 3, 2013 Order (Dkt. 34), Plaintiff, the National Organization for Marriage (NOM) hereby submits its objections to Defendants exhibit list.
Objection
N/A
N/A
HRC Documents0001
HRC Documents0019
First Amendment Privilege re: names and addresses of Plaintiffs contributors; Statutory Privilege under 26 U.S.C. 6103 for the same information; Privileged under Fed. R. of Evid. 501 as trade secrets. Relevancy as to specific names of donors and specific amounts contributed under Fed. R. Evid. 401-402. Relevancy as to Fed. R. Evid. 403 as the probative value of
HRC Documents0009
HRC Documents0111
4 5 6 7
8/26/2013 NOM Email Email from R. Koenig to M. Meisel Online SEIN Audit Trail IRS Printer Logs IRM 3.20.13 dated 1/1/2011 Citrix Audit Log Screen Shot Supplemental Information.pdf Online SEIN Audit Trail for ZKNLB ZKNLB Printer Usage by User ZKNLB Printer Event Log ZKNLB All logons ZKNLB Print Events 1/21/2011 ZKNLB Print Events 1/21/2011 including page count
the names and addresses of donors and amounts that they contributed will lead to undue delay, wasting of time, confusion of the issues, and is substantially outweighed by the unfair prejudice. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues.
GOV-PROD-0000586
GOV-PROD-0000586
9 10 11 12 13
14
GOV-PROD-0000595
GOV-PROD-0000595
15 16
GOV-PROD-0000636 GOV-PROD-0000638
GOV-PROD-0000637 GOV-PROD-0000642
17 18 19 20
21
GOV-PROD-0001344
GOV-PROD-0001345
22
GOV-PROD-0001571
GOV-PROD-0001576
23
GOV-PROD-0001593
GOV-PROD-0001593
24 25 26 27 28
29
GOV-PROD-0002024
GOV-PROD-0002029
IRS 3893C letter IRS 3983C letter macro IRS Form 4506-A Volumes For 2009-2014 IDRS ENMOD for NOM IRM 3.20.13 revision 1/1/2010 IRM 3.20.13 revision 1/1/2014 Online SEIN Audit Trail by Tax Year 12/12/2013 Hearsay Memorandum from J. Archibald Submission Processing Programs Review IRS Form 4506-A (March 2009) Instructions for IRS Form 4506-A Peters Training History 1 B&W Peters Training History 2 B&W Peters Training History 1 Peters Training History 2 Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and NOM Blog confusion of the issues. 12/31/2013 Authenticity under
30
GOV-PROD-0002049
GOV-PROD-0002055
31
GOV-PROD-0002056
GOV-PROD-0002062
32
GOV-PROD-0002063
GOV-PROD-0002064
NOM Blog -12/6/13 10/9/2013 NY Post Article - To Break the IRS' Wall of Silence
33
GOV-PROD-0002065
GOV-PROD-0002068
Fed. R. of Evid. 901; Hearsay. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901. Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901. Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay. Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is
34
GOV-PROD-0002069
GOV-PROD-0002069
Video List
35
GOV-PROD-0002080
GOV-PROD-0002080
NOMFacebook 6/5/2013
36
GOV-PROD-0002082
GOV-PROD-0002082
NOMFacebook 10/4/2013
substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901. Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay. Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay. Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity
37
GOV-PROD-0002083
GOV-PROD-0002083
NOMFacebook 5/11/2013
38
GOV-PROD-0002084
GOV-PROD-0002084
NOMFacebook 6/10/2013
39
GOV-PROD-0002086
GOV-PROD-0002086
40 41
GOV-PROD-0002125 GOV-PROD-0002130
GOV-PROD-0002125 GOV-PROD-0002131
NOMFacebook MillionDollarMa tch 5081 Security Approval 2/9/2009 5081 Security Approval
under Fed. R. of Evid. 901. Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901. Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901. Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay.
2/11/2009 5081 Security Approval 2/11/2009 (2nd) TEAM 6 CJE Training document 8/18/2010 Email Thread from C. Peek re: Form 4506-A Email from D. Hamilton to W. Peters re: approval via 5081 1/19/2011 email from W. Peters to P. Riley re: media 1/19/2011 email exchange between W. Peters to P. Riley re: media 1/24/2011 email exchange between W. Peters to P. Riley re: media 2/28/2011 email from W. Peters to P. Riley re: media 3/2/2011 email from W. Peters to P. Riley re: media 3/2/2011 email exchange between W. Peters to P. Riley re: media Computer screenshot 3/4/2011 email exchange between W.
42
GOV-PROD-0002132
GOV-PROD-0002133
43
GOV-PROD-0002134
GOV-PROD-0002134
44
GOV-PROD-0002158
GOV-PROD-0002159
45
GOV-PROD-0002161
GOV-PROD-0002162
Hearsay.
46
GOV-PROD-0002163
GOV-PROD-0002163
Hearsay.
47
GOV-PROD-0002164
GOV-PROD-0002165
Hearsay.
48
GOV-PROD-0002166
GOV-PROD-0002166
Hearsay.
49
GOV-PROD-0002167
GOV-PROD-0002167
Hearsay.
50
GOV-PROD-0002168
GOV-PROD-0002168
Hearsay.
51 52
GOV-PROD-0002169 GOV-PROD-0002171
GOV-PROD-0002170 GOV-PROD-0002171
Hearsay.
53
GOV-PROD-0002173
GOV-PROD-0002174
54
GOV-PROD-0002175
GOV-PROD-0002177
55
GOV-PROD-0002178
GOV-PROD-0002181
56
GOV-PROD-0002339
GOV-PROD-0002348
57
GOV-PROD-0002350
GOV-PROD-0002350
58 59
GOV-PROD-0002351 GOV-PROD-0002390
GOV-PROD-0002351 GOV-PROD-0002394
60 61
GOV-PROD-0002403 GOV-PROD-0002446
GOV-PROD-0002434 GOV-PROD-0002447
62 63 64 65 66
67
GOV-PROD-0002509
GOV-PROD-0002532
68
GOV-PROD-0002091
GOV-PROD-0002091
Peters to P. Riley re: media 3/4/2011 email Hearsay. exchange between W. Peters to P. Riley re: media 3/4/2011 email Hearsay. exchange between W. Peters to P. Riley re: media NOM request for investigation 4/18/2012 email from S. Whitaker to D. Hamilton re: access to OL-SEIN Excel spreadsheet attachment to GOV-PROD-002 350 IRS 3983C letter macro Doc. re: Plain Talk About Ethics 6/17/2013 TEGE Quality Alert SEIN Background and History Online 5081 history report W. Peters Time Entries IRM 10.5.5 dated 8/26/2013 UNAX PowerPoint UNAX PowerPoint (Extended) W. Peters Performance Award 8/2009
69
GOV-PROD-0002092
GOV-PROD-0002092
70
GOV-PROD-0002093
GOV-PROD-0002093
71
GOV-PROD-0002094
GOV-PROD-0002094
72
GOV-PROD-0002095
GOV-PROD-0002095
73
GOV-PROD-0002533
GOV-PROD-0002536
74
GOV-PROD-0002579
GOV-PROD-0002595
W. Peters Performance Award 8/2010 W. Peters Performance Award 8/2010 (2nd) W. Peters Performance Award 8/2010 (3rd) W. Peters Performance Award 3/2010 1/26/2011 email thread from P. Riley to W. Peters re: media request for nonprofit database waiver of fees NOM Form 990 for 2007 First Amendment Privilege re: names and addresses of Plaintiffs contributors; Statutory Privilege under 26 U.S.C. 6103 for the same information; Privileged under Fed. R. of Evid. 501 as trade secrets. Relevancy as to specific names of donors and specific amounts contributed under Fed. R. Evid. 401-402. Relevancy as to Fed. R. Evid. 403 as the probative value of the names and addresses of donors and amounts that they contributed will lead to undue delay, wasting of time, confusion of the issues, and is substantially
75
GOV-PROD-0002596
GOV-PROD-0002632
76
GOV-PROD-0002633
GOV-PROD-0002664
77
GOV-PROD-0002665
GOV-PROD-0002703
outweighed by the unfair prejudice. First Amendment Privilege re: names and addresses of Plaintiffs contributors; Statutory Privilege under 26 U.S.C. 6103 for the same information; Privileged under Fed. R. of Evid. 501 as trade secrets. Relevancy as to specific names of donors and specific amounts contributed under Fed. R. Evid. 401-402. Relevancy as to Fed. R. Evid. 403 as the probative value of the names and addresses of donors and amounts that they contributed will lead to undue delay, wasting of time, confusion of the issues, and is substantially outweighed by the unfair prejudice. First Amendment Privilege re: names and addresses of Plaintiffs contributors; Statutory Privilege under 26 U.S.C. 6103 for the same information; Privileged under Fed. R. of Evid. 501 as trade secrets. Relevancy as to specific names of donors and specific amounts contributed under Fed. R. Evid. 401-402. Relevancy as to Fed. R. Evid. 403 as the probative value of the names and addresses of donors and amounts that they
10
contributed will lead to undue delay, wasting of time, confusion of the issues, and is substantially outweighed by the unfair prejudice. ZKNLB Printer Log Spreadsheet, various dates from 1/21/2011 to 11/28/2011 ZKNLB Printer Logs, various dates from 1/21/2011 to 11/28/2011 5/15/2012 letter from California FPPC to B. Brown Various letters relating to FPPC's investigation 6/28/2012 FPPC letter to Z. Kester and various responses Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay. Relevancy, under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially
78
GOV-PROD-0002547
GOV-PROD-0002547
79
GOV-PROD-0002548
GOV-PROD-0002550
80
NOM-01314
NOM-01314
81
NOM-01316
NOM-01322
82
NOM-01370
NOM-01375
83
NOM-01428
NOM-01432
84
NOM-01433
NOM-01437
11
85
NOM-01443
NOM-01445
86
NOM-01454
NOM-01456
87
NOM-01475
NOM-01477
outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid.
12
901; Hearsay. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Authenticity under Fed. R. of Evid. 901; Hearsay.
88
NOM-01483
NOM-01486
89
NOM-01516
NOM-01518
90 91
NOM-01524 NOM-01633
NOM-01526 NOM-01649
92
NOM-01654
NOM-01790
13
93
NOM-01791
NOM-01798
94
NOM-01815
NOM-01822
ActRight Expenses 6/4/2013 J. Eastman Testimony First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead 5/17/2013 email to undue delay, from E. Ray to wasting of time, and NOM re: IRS hits confusion of the issues; to date Hearsay. First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, 7/24/2012 email wasting of time, and thread from B. confusion of the issues; Duggan Hearsay. First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. 7/29/2013 email Privileged as Trade from E. Ray re: Secret under Fed. R. media strategy Evid. 501; Hearsay.
95
NOM-01853
NOM-01934
96
NOM-02070
NOM-02070
97
NOM-02104
NOM-02105
14
98
NOM-02110
NOM-02110
99
NOM-02317
NOM-02317
100
NOM-02546
NOM-02547
101
NOM-02558
NOM-02565
First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, 11/1/2013 email wasting of time, and from E. Ray re: confusion of the issues; Susan Crabtree Hearsay. First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, 7/27/2012 email wasting of time, and from B. Duggan confusion of the issues; to B. Dunn (SFC) Hearsay. First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the 12/19/2013 email prejudice and will lead from B. Duggan to undue delay, to House staffers wasting of time, and re: USA's confusion of the issues; Answer Hearsay. First Amendment 10/4/2013 email privilege; Relevancy exchange under Fed. R. of Evid. between G. 401-402 and Fed. R. of Norquist and B. Evid. 403 as the Brown re: probative value of the lawsuit evidence is
15
102
NOM-02590
NOM-02597
103
NOM-02673
NOM-02675
104
NOM-02722
NOM-02722
105
NOM-02726
NOM-02729
substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues; Hearsay. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead 4/6/2012 email to undue delay, thread re: NOM wasting of time, and demands federal confusion of the issues; investigation Hearsay. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, 6/11/2013 email wasting of time, and from B. Brown to confusion of the issues; supporters Hearsay. First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead 8/24/2013 email to undue delay, from B. Monge wasting of time, and to B. Duggan and confusion of the issues; Fr. Anthony Hearsay. 9/27/2013 email First Amendment re: Oversight privilege; Relevancy Committee to under Fed. R. of Evid. Investigate NOM 401-402 and Fed. R. of
16
106
NOM-02774
NOM-02780
107
NOM-02781
NOM-02799
108
NOM-03670
NOM-03676
Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues; Hearsay. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, 4/12/2012 email wasting of time, and from B. Brown to confusion of the issues; NOMNews Hearsay. First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, Emails from wasting of time, and NOM re: confusion of the issues; disclosure Hearsay. First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the 8/16/2013 email prejudice and will lead from B. Duggan to undue delay, re: timing of wasting of time, and lawsuit confusion of the issues.
17
109
NOM-03683
NOM-03684
110
NOM-03685
NOM-03688
10/2/2013 emails from F. Schubert re: Draft NOM v. IRS Press Release
111 112
NOM-03692 NOM-03700
NOM-03692 NOM-03703
Privileged as trade secret under Fed. R. Evid. 501. Hearsay. First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Privileged as trade secret under Fed. R. Evid. 501; Hearsay. First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues; Hearsay. First Amendment privilege; Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues; Hearsay.
18
113 114
GOV-PROD-0002770 GOV-PROD-0002772
GOV-PROD-0002771 GOV-PROD-0002777
Online 5081 Annual Recertification On-Line SEIN User Guide First Amendment Privilege re: names and addresses of Plaintiffs contributors; Statutory Privilege under 26 U.S.C. 6103 for the same information; Privileged under Fed. R. of Evid. 501 as trade secrets. Relevancy as to specific names of donors and specific amounts contributed under Fed. R. Evid. 401-402. Relevancy as to Fed. R. Evid. 403 as the probative value of the names and addresses of donors and amounts that they contributed will lead to undue delay, wasting of time, confusion of the issues, and is substantially outweighed by the unfair prejudice. First Amendment Privilege re: names and addresses of Plaintiffs contributors; Statutory Privilege under 26 U.S.C. 6103 for the same information; Privileged under Fed. R. of Evid. 501 as trade secrets. Relevancy as to specific names of donors and specific amounts contributed under Fed. R. Evid. 401-402. Relevancy as to Fed. R. Evid. 403 as the probative value of
115
GOV-PROD-0002778
GOV-PROD-0002814
116
GOV-PROD-0002815
GOV-PROD-0002848
19
117
GOV-PROD-0002849
GOV-PROD-0002884
118
GOV-PROD-0002885
GOV-PROD-0002922
the names and addresses of donors and amounts that they contributed will lead to undue delay, wasting of time, confusion of the issues, and is substantially outweighed by the unfair prejudice. First Amendment Privilege re: names and addresses of Plaintiffs contributors; Statutory Privilege under 26 U.S.C. 6103 for the same information; Privileged under Fed. R. of Evid. 501 as trade secrets. Relevancy as to specific names of donors and specific amounts contributed under Fed. R. Evid. 401-402. Relevancy as to Fed. R. Evid. 403 as the probative value of the names and addresses of donors and amounts that they contributed will lead to undue delay, wasting of time, confusion of the issues, and is substantially outweighed by the unfair prejudice. First Amendment Privilege re: names and addresses of Plaintiffs contributors; Statutory Privilege under 26 U.S.C. 6103 for the same information; Privileged under Fed. R. of Evid. 501 as trade secrets. Relevancy as to specific names of donors and specific
20
amounts contributed under Fed. R. Evid. 401-402. Relevancy as to Fed. R. Evid. 403 as the probative value of the names and addresses of donors and amounts that they contributed will lead to undue delay, wasting of time, confusion of the issues, and is substantially outweighed by the unfair prejudice. Document enclosure cover letter Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay,
119
Karger000001
Karger000001
120
Karger000004
Karger000005
121
Karger000089
Karger000089
122
Karger000017
Karger000037
21
123
Karger000071
Karger000087
124
Karger000327
Karger000356
125
Karger000038
Karger000070
126
Karger000167
Karger000205
wasting of time, and confusion of the issues. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. Relevancy under Fed. R. of Evid. 401-402 and Fed. R. of Evid. 403 as the probative value of the evidence is substantially outweighed by the prejudice and will lead to undue delay, wasting of time, and confusion of the issues. First Amendment Privilege re: names and addresses of Plaintiffs contributors; Statutory Privilege under 26 U.S.C. 6103 for the same information; Privileged under Fed. R. of Evid. 501 as trade secrets. Relevancy as to specific names of donors and specific amounts contributed under Fed. R. Evid.
22
401-402. Relevancy as to Fed. R. Evid. 403 as the probative value of the names and addresses of donors and amounts that they contributed will lead to undue delay, wasting of time, confusion of the issues, and is substantially outweighed by the unfair prejudice. Hearsay. FPPC May 28, 2012 Letter to Karger FPPC Dec. 18, 2013 Letter to Karger Supplemental document enclosure letter Plaintiff's Oct. 3, 2013 Verified Complaint and all exhibits Plaintiff's January 21, 2014 Discovery Responses to USA First Set of Discovery Plaintiff's Feb. 12, 2014 Supplemental Discovery Responses to USA First Set of Discovery Plaintiff's Mar. 11, 2014 Discovery Responses to USA Second Set of Discovery Plaintiff's 26(a)(1) Disclosures dated
127
Karger000124
Karger000124
128
Karger000123
Karger000123
129
Karger000326
Karger000326
130
N/A
N/A
131
N/A
N/A
132
N/A
N/A
133
N/A
N/A
134
N/A
N/A
23
135
N/A
N/A
NOM reserves the right to amend the objections above based on the Courts Orders regarding pretrial motions.
Cleta Mitchell, of counsel (D.C. 433386)* William E. Davis, of counsel (D.C. 280057)* Mathew D. Gutierrez, of counsel (Fla. 0094014)* Kaylan L. Phillips (Ind. 30405-84)* Noel H. Johnson (Wisc. 1068004)* ACTRIGHT LEGAL FOUNDATION 209 West Main Street Plainfield, IN 46168 (317) 203-5599 (telephone) (888) 815-5641 (fax) cmitchell@foley.com wdavis@foley.com mgutierrez@foley.com kphillips@actrightlegal.org njohnson@actrightlegal.org Counsel for Plaintiff
/s/ Jason Torchinsky (Va. 47481) Shawn Toomey Sheehy (Va. 82630) Holtzman Vogel Josefiak PLLC 45 North Hill Drive, Suite 100 Warrenton, VA 20186 (540) 341-8808 (telephone) (540) 341-8809 (fax) jtorchinsky@hvjlaw.com ssheehy@hvjlaw.com Counsel for Plaintiff John C. Eastman (Cal. 193726)* Anthony T. Caso (Cal. 88561)* Center for Constitutional Jurisprudence c/o Chapman University School of Law One University Drive Orange, CA 92866 (877) 855-3330 x2 (telephone) (714) 844-4817 (fax) jeastman@chapman.edu caso@chapman.edu Counsel for Plaintiff
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Certificate of Service I hereby certify that on March 31, 2014, I served the foregoing Plaintiffs Objections To Defendants Exhibit List on all registered users via CM/ECF including the following:
UNITED STATES OF AMERICA, INTERNAL REVENUE SERVICE Philip M. Schreiber (D.C. 502714)* Benjamin L. Tompkins (D.C. 474906)* Christopher D. Belen (Va. 78281) Trial Attorneys, Tax Division U.S. Department of Justice Post Office Box 14198 Ben Franklin Station Washington, DC 20044 (202) 514-6069 (Mr. Schreiber) (202) 514-5885 (Mr. Tompkins) (202) 307-2089 (Mr. Belen) Fax: 202-514-9868 philip.m.schreiber@usdoj.gov benjamin.l.tompkins@usdoj.gov christopher.d.belen@usdoj.gov Dana J. Boente Acting United States Attorney David Moskowitz Assistant U.S. Attorney 2100 Jamieson Avenue Alexandria, Virginia 22314 Telephone: (703) 299-3845 Fax: (703) 299-3983 david.moskowitz@usdoj.gov *Admitted Pro Hac Vice
__________/s/______________ Jason Torchinsky (Va. 47481) Shawn Toomey Sheehy (Va. 82630) Holtzman Vogel Josefiak PLLC 45 North Hill Drive, Suite 100 Warrenton, VA 20186 (540) 341-8808 (telephone) (540) 341-8809 (fax)
jtorchinsky@hvjlaw.com ssheehy@hvjlaw.com
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